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Tax Planning for CFCs Under Subpart F Income

  • Regus Meeting Room 1501 Broadway New York, NY, 10036 United States (map)

New York, NY - This seminar will explain tax strategies for controlled foreign corporations (CFCs) and tax planning under Subpart F income.  Subpart F is to prevent CFCs from structuring transactions in a way that are designed to manipulate the inconsistencies between foreign and U.S. tax systems to inappropriately generate low or non-taxed income on which U.S. tax may be permanently deferred. There are several exceptions to the categories of subpart F income to reduce taxes. Earn 7.5 CPE/CLE Credits

Earlier Event: November 13
Hot Issues U.S. International Taxation